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605789
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Minimum Wage more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what assessment he has made of the effect of the increase in the national minimum wage on the incomes of low income households; and if he will make a statement. more like this
tabling member constituency Crawley more like this
tabling member printed
Henry Smith more like this
uin 49383 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>The introduction of the National Living Wage in April 2016 marked an important step towards building an economy that works for everyone. At £7.20, it represented a 50p increase on the National Minimum Wage, and a pay rise for over a million low paid workers across the UK, many of whom will be in low income households.</p><p> </p><p>The estimated impacts of the National Living Wage are set out in the impact assessment and Annex B of the Office of Budget Responsibility’s July Economic and Fiscal Outlook (available at http://www.legislation.gov.uk/ukdsi/2016/9780111141625/impacts/2016/3 and http://budgetresponsibility.org.uk/docs/dlm_uploads/July-2015-EFO-234224.pdf respectively).</p> more like this
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
question first answered
less than 2016-10-27T14:01:16Zmore like thismore than 2016-10-27T14:01:16Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
3960
label Biography information for Henry Smith more like this
605793
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Taxation: Malawi more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what his Department's policy is on the inclusion of a broad definition of permanent establishment in the UK-Malawi tax treaty. more like this
tabling member constituency Plymouth, Sutton and Devonport more like this
tabling member printed
Oliver Colvile more like this
uin 49384 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.</p><p> </p><p>The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.</p><p> </p><p>It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.</p><p> </p><p>The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.</p><p> </p>
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
grouped question UIN
49410 more like this
49411 more like this
49412 more like this
49413 more like this
question first answered
less than 2016-10-27T13:59:51.993Zmore like thismore than 2016-10-27T13:59:51.993Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
4022
label Biography information for Oliver Colvile more like this
605796
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Taxation: Malawi more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what his Department's policy is on the inclusion of anti-abuse clauses in the UK-Malawi tax treaty to prevent tax avoidance through treaty shopping. more like this
tabling member constituency Plymouth, Sutton and Devonport more like this
tabling member printed
Oliver Colvile more like this
uin 49410 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.</p><p> </p><p>The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.</p><p> </p><p>It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.</p><p> </p><p>The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.</p><p> </p>
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
grouped question UIN
49384 more like this
49411 more like this
49412 more like this
49413 more like this
question first answered
less than 2016-10-27T13:59:52.06Zmore like thismore than 2016-10-27T13:59:52.06Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
4022
label Biography information for Oliver Colvile more like this
605797
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Taxation: Malawi more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what progress has been made in renegotiating the UK-Malawi tax treaty since January 2016. more like this
tabling member constituency Plymouth, Sutton and Devonport more like this
tabling member printed
Oliver Colvile more like this
uin 49411 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.</p><p> </p><p>The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.</p><p> </p><p>It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.</p><p> </p><p>The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.</p><p> </p>
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
grouped question UIN
49384 more like this
49410 more like this
49412 more like this
49413 more like this
question first answered
less than 2016-10-27T13:59:52.123Zmore like thismore than 2016-10-27T13:59:52.123Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
4022
label Biography information for Oliver Colvile more like this
605798
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Taxation: Malawi more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what plans his Department has for the revised UK-Malawi tax treaty to be signed. more like this
tabling member constituency Plymouth, Sutton and Devonport more like this
tabling member printed
Oliver Colvile more like this
uin 49412 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.</p><p> </p><p>The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.</p><p> </p><p>It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.</p><p> </p><p>The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.</p><p> </p>
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
grouped question UIN
49384 more like this
49410 more like this
49411 more like this
49413 more like this
question first answered
less than 2016-10-27T13:59:52.17Zmore like thismore than 2016-10-27T13:59:52.17Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
4022
label Biography information for Oliver Colvile more like this
605799
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Taxation: Malawi more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what the Government's priorities are for the renegotiation of the UK-Malawi tax treaty. more like this
tabling member constituency Plymouth, Sutton and Devonport more like this
tabling member printed
Oliver Colvile more like this
uin 49413 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>As is usual in any negotiation, the text of a tax treaty remains confidential between the two governments during the negotiations. It is not therefore possible to comment on the contents of a treaty before it is signed.</p><p> </p><p>The majority of the UK’s double taxation treaties are based on the OECD Model Double Taxation Convention. However, some developing countries prefer to follow the United Nations Model, whose provisions differ in some respects from the OECD Model, including in the “permanent establishment” article. Many of the UK’s treaties with developing countries contain at least some of these provisions. A treaty will be signed only when both governments are satisfied with its contents.</p><p> </p><p>It has long been the UK’s policy to include robust anti-abuse provisions in its tax treaties to ensure that they operate as intended and in particular that residents of third countries cannot indirectly benefit from their provisions.</p><p> </p><p>The text of the new treaty with Malawi was substantively agreed some time ago. However, in August 2016 Malawi raised some further points for consideration, which we will work together on. When that process is complete, and both countries are satisfied with contents of the new treaty, it will be signed and published. Parliament will scrutinise the revised agreement, as part of the affirmative Statutory Instruments procedures, before the treaty can enter into force.</p><p> </p>
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
grouped question UIN
49384 more like this
49410 more like this
49411 more like this
49412 more like this
question first answered
less than 2016-10-27T13:59:52.23Zmore like thismore than 2016-10-27T13:59:52.23Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
4022
label Biography information for Oliver Colvile more like this
605801
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Revenue and Customs: Disability more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what measures his Department has put in place to prevent disability discrimination by HM Revenue and Customs in its recruitment procedures; and if he will make a statement. more like this
tabling member constituency North Down more like this
tabling member printed
Lady Hermon more like this
uin 49508 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>HM Revenue and Customs (HMRC) has been recognised as a Disability Confident Employer.</p><p>HMRC has a long-standing and wide variety of measures in place to assist disabled job applicants and to prevent disability discrimination in its recruitment procedures. For example: discussing with disabled applicants their precise needs where they require assistance during the recruitment process; providing selection panels access to a specialist HR team with expert knowledge of the type of adjustments that can reasonably be made, whether it’s ensuring that the test and interview environment is particularly suitable for disabled candidates, providing selection material in alternate formats, offering signers for deaf candidates, allowing extra time for tests, accepting paper applications instead of the usual on-line applications process and so forth; and providing clear information to job applicants about the departmental vacancy filling complaints process.</p><p> </p><p>HMRC guarantees an interview to every disabled applicant who meets the minimum criteria for the job. Further, HMRC has introduced unconscious bias training for all its staff including of course those taking part as selectors. It enables them to question personal beliefs and ensure objective evidence gathering in the recruitment process. In addition, all selectors must have completed diversity awareness training before undertaking recruitment work. More recently, HMRC is addressing the issue of ‘recruiter confidence’ when working with disabled colleagues by creating a bespoke disability awareness workshop that is being rolled out to all managers and recruiters.</p>
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
grouped question UIN 49509 more like this
question first answered
less than 2016-10-27T13:42:01.977Zmore like thismore than 2016-10-27T13:42:01.977Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
1437
label Biography information for Lady Hermon more like this
605803
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Revenue and Customs: Liability more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, with reference to paragraph 7.2, Heading contingent liabilities, page 176 of the Annual Report and Accounts 2015-16 of HM Revenue and Customs, published in December 2015, under what area of legislation are those cases of current liability. more like this
tabling member constituency Barking more like this
tabling member printed
Margaret Hodge more like this
uin 49498 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>The Trust Statement is prepared in accordance with International Financial Reporting Standards adapted or interpreted for public sector context.</p><p> </p><p>International Accounting Standard 37 – ‘Provisions, Contingent Liabilities and Contingent Assets’ is the standard that HM Revenue and Customs (HMRC) follows when calculating the level of contingent liability to be included with the disclosure notes to the Trust Statement. The contingent liabilities relate to legal cases for which the outcome is uncertain and HMRC considers that there is only a possible rather than probable likelihood that they will be required to make a payment, or the amount cannot be reliably measured.</p><p> </p><p>These cases are not current liabilities – they are a possible obligation dependent on whether some uncertain future event occurs.</p><p> </p> more like this
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
question first answered
less than 2016-10-27T15:21:32.203Zmore like thismore than 2016-10-27T15:21:32.203Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
140
label Biography information for Dame Margaret Hodge more like this
605804
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Revenue and Customs: Disability more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, what recent assessment he has made of the effectiveness of the procedures put in place by HM Revenue and Customs to ensure there is no disability discrimination in its recruitment procedures; and if he will make a statement. more like this
tabling member constituency North Down more like this
tabling member printed
Lady Hermon more like this
uin 49509 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>HM Revenue and Customs (HMRC) has been recognised as a Disability Confident Employer.</p><p>HMRC has a long-standing and wide variety of measures in place to assist disabled job applicants and to prevent disability discrimination in its recruitment procedures. For example: discussing with disabled applicants their precise needs where they require assistance during the recruitment process; providing selection panels access to a specialist HR team with expert knowledge of the type of adjustments that can reasonably be made, whether it’s ensuring that the test and interview environment is particularly suitable for disabled candidates, providing selection material in alternate formats, offering signers for deaf candidates, allowing extra time for tests, accepting paper applications instead of the usual on-line applications process and so forth; and providing clear information to job applicants about the departmental vacancy filling complaints process.</p><p> </p><p>HMRC guarantees an interview to every disabled applicant who meets the minimum criteria for the job. Further, HMRC has introduced unconscious bias training for all its staff including of course those taking part as selectors. It enables them to question personal beliefs and ensure objective evidence gathering in the recruitment process. In addition, all selectors must have completed diversity awareness training before undertaking recruitment work. More recently, HMRC is addressing the issue of ‘recruiter confidence’ when working with disabled colleagues by creating a bespoke disability awareness workshop that is being rolled out to all managers and recruiters.</p>
answering member constituency Battersea more like this
answering member printed Jane Ellison more like this
grouped question UIN 49508 more like this
question first answered
less than 2016-10-27T13:42:02.07Zmore like thismore than 2016-10-27T13:42:02.07Z
answering member
3918
label Biography information for Jane Ellison more like this
tabling member
1437
label Biography information for Lady Hermon more like this
605807
registered interest false more like this
date remove filter
answering body
HM Treasury more like this
answering dept id 14 more like this
answering dept short name Treasury more like this
answering dept sort name CaTreasury more like this
hansard heading Wells Fargo more like this
house id 1 more like this
legislature
25259
pref label House of Commons more like this
question text To ask Mr Chancellor of the Exchequer, when (a) Government Ministers or civil servants and (b) representatives of the Bank of England last met representatives of Wells Fargo. more like this
tabling member constituency Coatbridge, Chryston and Bellshill more like this
tabling member printed
Phil Boswell more like this
uin 49438 more like this
answer
answer
is ministerial correction false more like this
date of answer less than 2016-10-27more like thismore than 2016-10-27
answer text <p>Treasury Ministers and officials have meetings with a wide variety of organisations in the public and private sectors as part of the process of policy development and delivery. Details of ministerial and permanent secretary meetings with external organisations on departmental business are published on a quarterly basis and are available at:</p><p><a href="https://www.gov.uk/government/collections/hmt-ministers-meetings-hospitality-gifts-and-overseas-travel" target="_blank">https://www.gov.uk/government/collections/hmt-ministers-meetings-hospitality-gifts-and-overseas-travel</a></p><p> </p><p>The Bank of England is independent of Government, and so the Treasury is not in a position to comment on meetings held by its officials.</p><p> </p> more like this
answering member constituency Brighton, Kemptown more like this
answering member printed Simon Kirby more like this
question first answered
less than 2016-10-27T13:37:48.487Zmore like thismore than 2016-10-27T13:37:48.487Z
answering member
3929
label Biography information for Simon Kirby more like this
tabling member
4388
label Biography information for Philip Boswell more like this